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What gives the IRS authority to hold company individuals personally liable for employment taxes

August 18, 2022
60 Mins
Adam Fayne
$199.00
$299.00
$199.00
$199.00
$299.00
$299.00
$199.00

Fundamentals of the Most practitioners and taxpayers are unaware that the employers may be held personally liable for their companies failure to pay employment taxes. This session will discuss how and when the IRS may hold company owners and officers personally liable for these employment taxes and what tools and strategies taxpayers can use to dispute and resolve these personal assessments. This webinar will provide an overview of the Trust Fund Recovery Penalty and also will discuss what happens when clients fail to pay Employment Taxes and file Forms 941.

Webinar Objectives

This webinar will help you identify those company individuals that the IRS may determine are “responsible officers” for purposes of being personally liable for the company’s employment tax obligations. We will discuss the process the IRS uses to determine who is a responsible officer and what rights taxpayers have to dispute the IRS’s claim. We will learn how to approach the IRS interview, what materials to provide, and how to appeal an adverse determination by the IRS.

Webinar Highlights
  • What gives the IRS authority to hold company individuals personally liable for employment taxes.
  • What is a “Responsible Officer”
  • What tools are available to taxpayers to argue they should not held to be a responsible officer.
  • Conflicts between company individuals and how to navigate those conflicts.
  • Appeal rights when the IRS makes and adverse determination.
  • How to deal with collections and enforcement actions.
Who Should Attend?

Accountants, tax preparers, CFOs, financial compliance professionals, and lawyers
 

Adam Fayne

Adam Fayne

Adam is a tax attorney who helps businesses and individuals with tax controversies before the Internal Revenue Service (IRS) and tax planning both domestically and internationally. He also handles a variety of white collar criminal matters, both federal and state, particularly involving civil and criminal tax fraud, including tax evasion, money laundering and offshore tax compliance. Adam's knowledge of tax law is informed by his former role as a Special Assistant U.S. Attorney with the Department of Treasury's IRS.
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